Summary

The State Secretariat for Economic Affairs (SECO) of the Department of Economic Affairs, Education and Research (EAER) adjusted the form for reporting services and software on May 7, 2026. The change affects the provisions of the Ukraine Ordinance, specifically Article 28e Paragraph 9. The adjustment regulates reporting obligations for companies in the context of sanctions measures against Russia in connection with the Ukraine situation.

Persons

  • Fabian Maienfisch (Deputy Division Head and Media Spokesperson, SECO)

Topics

  • Sanctions and embargoes
  • Export controls
  • Ukraine Ordinance
  • Economic measures

Clarus Lead

The form adjustment takes place within the framework of the ongoing implementation of Swiss sanctions policy against Russia. It clarifies the administrative requirements for companies that export or provide services and software and thus fall under the reporting obligation.

Detailed Summary

SECO has revised the reporting form according to Article 28e Paragraph 9 of the Ukraine Ordinance. This provision requires companies to document and report transactions in the area of services and software, insofar as these fall under export control and sanctions regulations.

The adjustment clarifies administrative requirements and contributes to harmonizing reporting procedures. It is aimed at exporters, service providers, and software companies operating across borders.

Key Statements

  • SECO has adjusted the reporting form for services and software
  • Legal basis: Article 28e Paragraph 9 of the Ukraine Ordinance
  • Objective: Clarification of reporting obligations in the sanctions context

Critical Questions

  1. Evidence/Source Quality: What specific changes were made to the form and how do they differ from the previous version?

  2. Conflicts of Interest: Which stakeholders were consulted in the form revision – particularly export associations or affected business associations?

  3. Feasibility: What transition period do companies receive to adapt their compliance processes to the new form?

  4. Causality: Is the form adjustment based on identified deficiencies in previous reporting practices or on changed international legal requirements?

  5. Transparency: Where can companies access the updated form and what support does SECO offer for implementation?


Source Directory

Primary Source: SECO – Ordinance on Measures Related to the Situation in Ukraine – https://www.news.admin.ch/de/newnsb/TIcdMdC-ABNAwHFAAnJQD

Contact: Fabian Maienfisch, Deputy Division Head and Media Spokesperson SECO Tel: +41 58 462 40 20 | Email: [email protected]

Verification Status: ✓ May 7, 2026


This text was created with the support of an AI model. Editorial responsibility: clarus.news | Fact-checking: May 7, 2026